Estate of Morrissette v. Commissioner T.C. Memo. 2021-60
On May 12, 2021, the Tax Court issued a Memorandum Opinion in the case of Estate of Morrissette v. Commissioner (T.C. Memo. 2021-60). The primary issue presented in Estate of Morrissette v. Commissioner was whether IRC § 2036 or IRC § 2038 applies to recapture significant inter vivos transfers made as part of the split-dollar agreements, and, if not, whether the special valuation rule of IRC § 2703 applies to require that the valuation disregard a provision in the split-dollar agreements that restricts the parties’ right to unilaterally terminate the agreements. Initial Clarification in Estate of Morrissette v. Commissioner The decedent does not, as far as I could discern from my research, bear any relation to the Canadian-American singer-songwriter Alanis Morissette, who known as much for her emotive mezzo-soprano voice as her utter failure to be able to appropriately distinguish between events that are unfortunate and those that are, actually, Ironic.…



